COVERAGE

Traps for the Unwary in Treaties

July 2022

Read time: 2 min

Caroline Ngo highlights a few traps for the unwary for companies in common Limitation on Benefits provisions in a US bilateral income tax treaty. This note also briefly describes situations in which discretionary competent authority relief might be available.

To read the full note, please click here.

Caroline H. Ngo

Partner

Washington, DC

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